No. IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT. IN RE ANGELICAVILLALOBOS, JUAN ESCALENTE, JANE DOE #4, and JANE DOE #5

Similar documents
Case 1:14-cv Document 430 Filed in TXSD on 11/18/16 Page 1 of 6

No. IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT. IN RE ANGELICAVILLALOBOS, JUAN ESCALENTE, JANE DOE #4, and JANE DOE #5

Case 1:14-cv Document 183 Filed in TXSD on 03/05/15 Page 1 of 11

NO UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT. STATE OF TEXAS, et al.,

In the United States Court of Appeals for the Fifth Circuit

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA

No. IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT. IN RE ANGELICAVILLALOBOS, JUAN ESCALENTE, JANE DOE #4, and JANE DOE #5

Case: Document: Page: 1 Date Filed: 03/31/2017 IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT. No.

Nos & 16A1190. IN THE Supreme Court of the United States

Case 1:17-cv Document 10 Filed 01/29/17 Page 1 of 5 PageID #: 89 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF NEW YORK

UNITED STATES COURT OF APPEALS

No ERICK DANIEL DAvus, LORRIES PAWS, DIRECTOR, TEXAS DEPARTMENT OF CRIMINAL JUSTICE, CORRECTIONAL INSTITUTIONS DIVISION,

Case 1:17-cv Document 2 Filed 03/07/17 Page 1 of 6 PageID #: 30

IN THE UNITED STATES COURT OF APPEALS FOR THE FOURTH CIRCUIT

Case 5:17-cv OLG Document 58 Filed 06/19/17 Page 1 of 6

2:11-cv RMG Date Filed 03/03/14 Entry Number 152 Page 1 of 7

Supreme Court of the United States

ORAL ARGUMENT HELD APRIL 16, 2015 DECISION ISSUED JUNE 9, 2015 IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

Case 7:16-cv O Document 85 Filed 03/27/17 Page 1 of 8 PageID 2792

IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF TEXAS FORT WORTH DIVISION. Plaintiffs,

IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF TEXAS FORT WORTH DIVISION. Plaintiffs,

In The Supreme Court of the United States

Case 4:18-cv O Document 74 Filed 05/16/18 Page 1 of 8 PageID 879

stipulated that each of the above parties shall bear its own costs and fees.

Case 3:15-cv N Document 13 Filed 12/07/15 Page 1 of 17 PageID 663 IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF TEXAS DALLAS DIVISION

United States Court of Appeals FIFTH CIRCUIT OFFICE OF THE CLERK TEL S. MAESTRI PLACE NEW ORLEANS, LA 70130

IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

Nos , IN THE UNITED STATES COURT OF APPEALS FOR THE TENTH CIRCUIT

Terance Healy v. Attorney General Pennsylvania

No IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT

No IN THE UNITED STATES COURT OF APPEALS FOR THE TENTH CIRCUIT. Ute Indian Tribe of the Uintah and Ouray Reservation, et al.

Case 5:13-cv EFM-TJJ Document 190 Filed 04/21/14 Page 1 of 7 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS

Case 1:14-cv Document 150 Filed in TXSD on 02/23/15 Page 1 of 24

Case 3:15-md CRB Document 4700 Filed 01/29/18 Page 1 of 5

ACTION: Notice announcing addresses for summons and complaints. SUMMARY: Our Office of the General Counsel (OGC) is responsible for processing

Case 2:17-cv MJP Document 238 Filed 04/30/18 Page 1 of 8

No IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT

IN THE UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT. Petitioners, Real Parties in Interest.

No IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT. CLEAN AIR COUNCIL, et al.,

In the United States Court of Appeals for the Tenth Circuit

Appellate Case: Document: Date Filed: 01/29/2018 Page: 1 FILED United States Court of Appeals UNITED STATES COURT OF APPEALS

State Statutory Provisions Addressing Mutual Protection Orders

IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF ALABAMA NORTHERN DIVISION

Case 1:18-cv ABJ Document 18 Filed 02/06/18 Page 1 of 7 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA.

Case 1:18-cv ELH Document 41 Filed 12/18/18 Page 1 of 5 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND

IN THE UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF FLORIDA Pensacola Division. Case No.: 3:10-cv-91-RV/EMT

IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT

Appellate Case: Document: Date Filed: 02/10/2016 Page: 1 UNITED STATES COURT OF APPEALS FOR THE TENTH CIRCUIT

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF FLORIDA TALLAHASSEE DIVISION

IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT

UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

Case 2:17-cv JS Document 59 Filed 05/10/18 Page 1 of 9 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK

No UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT. REBECCA FRIEDRICHS, et al., Plaintiffs-Appellants,

IN THE UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT

PERMISSIBILITY OF ELECTRONIC VOTING IN THE UNITED STATES. Member Electronic Vote/ . Alabama No No Yes No. Alaska No No No No

IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

UNITED STATES COURT OF APPEALS FOR THE TENTH CIRCUIT APPELLEES RESPONSE IN OPPOSITION TO APPELLANTS MOTION FOR INITIAL HEARING EN BANC

Supreme Court of the United States

IN THE UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )

Case: /20/2014 ID: DktEntry: 56-1 Page: 1 of 4 (1 of 13) NOT FOR PUBLICATION UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT

IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT. No Plaintiffs-Appellees,

Case 1:15-cv RMB Document 35 Filed 05/28/15 Page 1 of 5 U.S. Department of Justice

Supreme Court of the United States

Case 3:16-cv CWR-LRA Document 25 Filed 08/08/16 Page 1 of 9

States Permitting Or Prohibiting Mutual July respondent in the same action.

ORAL ARGUMENT SCHEDULED FOR APRIL 19, 2017 IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

MEMORANDUM FOR: James W. McCament Acting Director U.S. Citizenship and Immigration Services

No No CV LRS

8:13-cv JFB-TDT Doc # 51 Filed: 10/08/13 Page 1 of 14 - Page ID # 1162 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEBRASKA

National State Law Survey: Statute of Limitations 1

No CHRISTOPHER DONELAN, SHERIFF OF FRANKLIN COUNTY, MASSACHUSETTS, ET AL., Respondents. REPLY IN SUPPORT OF PETITION FOR A WRIT OF CERTIORARI

No CAPITAL CASE IN THE SUPREME COURT OF THE UNITED STATES. THOMAS D. ARTHUR, Petitioner, v. STATE OF ALABAMA, Respondent.

UNITED STATES COURT OF APPEALS

UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION

IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ROME DIVISION

UNITED STATES COURT OF APPEALS FOR THE TENTH CIRCUIT

GOVERNOR AG LEGISLATURE PUC DEQ

Supreme Court of the United States

Electronic Access? State. Court Rules on Public Access? Materials/Info on the web?

No IN THE UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT DOTCONNECTAFRICA TRUST,

ORAL ARGUMENT SCHEDULED FOR MAY 8, 2017 IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

IN THE UNITED STATES COURT OF APPEALS FOR THE TENTH CIRCUIT

UNOPPOSED MOTION OF PLAINTIFF-APPELLANT CITIZEN CENTER FOR EXTENSION OF TIME TO FILE OPENING BRIEF

IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

Case 5:14-cv TLB Document 144 Filed 02/22/17 Page 1 of 5 PageID #: 6997 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF ARKANSAS

F I L E D September 9, 2011

ORDER MODIFYING PRELIMINARY INJUNCTION AND DENYING MOTION FOR STAY. The Secretary of State seeks a stay of the preliminary injunction this

Case 1:17-cv SS Document 61 Filed 06/28/17 Page 1 of 8 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF TEXAS AUSTIN DIVISION

Case 1:17-cv JCG Document 117 Filed 09/12/17 Page 1 of 8. Slip Op UNITED STATES COURT OF INTERNATIONAL TRADE

ORAL ARGUMENT NOT YET SCHEDULED UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT

Case mxm11 Doc 228 Filed 05/25/18 Entered 05/25/18 15:17:11 Page 1 of 13

IN THE UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT

MARTHA L. KING 1900 Plaza Drive Louisville, CO Telephone: (303) Direct: (303) Fax: (303)

JOINT MOTION TO SET BRIEFING SCHEDULE. Pursuant to Fed. R. App. P. 26(b) and 10th Cir. R. 27.5, the parties jointly

[ORAL ARGUMENT NOT YET SCHEDULED] UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT

7-45. Electronic Access to Legislative Documents. Legislative Documents

Case: , 12/15/2015, ID: , DktEntry: 51-1, Page 1 of 3 NOT FOR PUBLICATION UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT

UNITED STATES COURT OF APPEALS FOR THE NINTH CIRCUIT. No TODD S. GLASSEY AND MICHAEL E. MCNEIL,

In The United States Court of Appeals For the Third Circuit

Transcription:

Case: 16-40797 Document: 00513534709 Page: 1 Date Filed: 06/06/2016 No. IN THE UNITED STATES COURT OF APPEALS FOR THE FIFTH CIRCUIT IN RE ANGELICAVILLALOBOS, JUAN ESCALENTE, JANE DOE #4, and JANE DOE #5 Original Proceeding from the United States District Court for the Southern District of Texas, Brownsville Division Case No. 14-cv-00254 PETITIONERS EMERGENCY MOTION FOR STAY KAREN C. TUMLIN tumlin@nilc.org NORA A. PRECIADO preciado@nilc.org National Immigration Law Center 3435 Wilshire Blvd., Suite 1600 Los Angeles, CA 90010 Telephone: (213) 639-3900 JUSTIN B. COX cox@cox.legal Law Office of Justin B. Cox NILC Cooperating Attorney 1989 College Avenue NE Atlanta, GA 30317 Telephone: (678) 404-9119 OMAR C. JADWAT ojadwat@aclu.org American Civil Liberties Union Foundation Immigrants Rights Project 125 Broad Street, 18th Floor New York, NY 10004 Telephone: (212) 549-2620 Counsel for Petitioners

Case: 16-40797 Document: 00513534709 Page: 2 Date Filed: 06/06/2016 CECILLIA D. WANG cwang@aclu.org CODY WOFSY cwofsy@aclu.org American Civil Liberties Union Foundation Immigrants Rights Project 39 Drumm Street San Francisco, CA 94111 Telephone: (415) 343-0770 EDGAR SALDIVAR Texas State Bar No. 24038188 esaldivar@aclutx.org REBECCA L. ROBERTSON Texas State Bar No. 00794542 rrobertson@aclutx.org American Civil Liberties Union of Texas 1500 McGowen Street, Suite 250 Houston, TX 77004 Telephone: (713) 942-8146

Case: 16-40797 Document: 00513534709 Page: 3 Date Filed: 06/06/2016 CERTIFICATE OF INTERESTED PARTIES Respondents Honorable Andrew S. Hanen, U.S. District Court for the Southern District of Texas, Brownsville Division Respondent s Counsel STATE OF TEXAS Plaintiff-Appellee Scott A. Keller, Solicitor OFFICE OF THE SOLICITOR GENERAL J. Campbell, Deputy Solicitor OFFICE OF THE SOLICITOR GENERAL OFFICE OF THE ATTORNEY GENERAL Assistant Attorney OFFICE OF THE ATTORNEY GENERAL TEXAS ATTORNEY GENERAL OFFICE OF THE SOLICITOR GENERAL OFFICE OF THE SOLICITOR GENERAL 1

Case: 16-40797 Document: 00513534709 Page: 4 Date Filed: 06/06/2016 STATE OF ALABAMA Plaintiff Appellee OFFICE OF THE ATTORNEY GENERAL Scott A. Keller, Solicitor Assistant Attorney Solicitor STATE OF GEORGIA Plaintiff Appellee Scott A. Keller, Solicitor 2

Case: 16-40797 Document: 00513534709 Page: 5 Date Filed: 06/06/2016 Assistant Attorney Solicitor STATE OF IDAHO Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney 3

Case: 16-40797 Document: 00513534709 Page: 6 Date Filed: 06/06/2016 Solicitor STATE OF INDIANA Plaintiff Appellee Scott A. Keller, Solicitor Joseph Conrad Chapelle BARNES & THORNBURG,L.L.P. Peter J Rusthoven BARNES & THORNBURG, L.L.P. Assistant Attorney Solicitor 4

Case: 16-40797 Document: 00513534709 Page: 7 Date Filed: 06/06/2016 STATE OF KANSAS Plaintiff Appellee Scott A. Keller, Solicitor Dwight Carswell KANSAS ATTORNEY GENERAL S OFFICE Assistant Attorney Solicitor STATE OF LOUISIANA Plaintiff Appellee 5

Case: 16-40797 Document: 00513534709 Page: 8 Date Filed: 06/06/2016 Scott A. Keller, Solicitor Assistant Attorney Solicitor STATE OF MONTANA Plaintiff - Appellee Scott A. Keller, Solicitor 6

Case: 16-40797 Document: 00513534709 Page: 9 Date Filed: 06/06/2016 Assistant Attorney Solicitor STATE OF NEBRASKA Plaintiff Appellee Scott A. Keller, Solicitor David A. Lopez OFFICE OF NEBRASKA ATTORNEY GENERAL Ryan S Post OFFICE OF NEBRASKA ATTORNEY GENERAL 7

Case: 16-40797 Document: 00513534709 Page: 10 Date Filed: 06/06/2016 Assistant Attorney Solicitor STATE OF SOUTH CAROLINA Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney 8

Case: 16-40797 Document: 00513534709 Page: 11 Date Filed: 06/06/2016 Solicitor STATE OF SOUTH DAKOTA Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor 9

Case: 16-40797 Document: 00513534709 Page: 12 Date Filed: 06/06/2016 STATE OF UTAH Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor STATE OF WEST VIRGINIA Plaintiff Appellee Scott A. Keller, Solicitor 10

Case: 16-40797 Document: 00513534709 Page: 13 Date Filed: 06/06/2016 Assistant Attorney Solicitor STATE OF WISCONSIN Plaintiff Appellee Scott A. Keller, Solicitor Daniel P Lennington WISCONSIN DEPARTMENT OF JUSTICE Assistant Attorney 11

Case: 16-40797 Document: 00513534709 Page: 14 Date Filed: 06/06/2016 Solicitor PAUL R. LEPAGE, Governor, State of Maine Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor 12

Case: 16-40797 Document: 00513534709 Page: 15 Date Filed: 06/06/2016 PATRICK L. MCCRORY, Governor, State of North Carolina Plaintiff - Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor C. L. "BUTCH" OTTER, Governor, State of Idaho Plaintiff Appellee Scott A. Keller, Solicitor 13

Case: 16-40797 Document: 00513534709 Page: 16 Date Filed: 06/06/2016 Cally Younger OFFICE OF GOVERNOR CL BUTCH OTTER Assistant Attorney Solicitor PHIL BRYANT, Governor, State of Mississippi Plaintiff Appellee Scott A. Keller, Solicitor 14

Case: 16-40797 Document: 00513534709 Page: 17 Date Filed: 06/06/2016 Assistant Attorney Solicitor STATE OF NORTH DAKOTA Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor 15

Case: 16-40797 Document: 00513534709 Page: 18 Date Filed: 06/06/2016 STATE OF OHIO Plaintiff Appellee Scott A. Keller, Solicitor Eric E Murphy OHIO ATTORNEY GENERAL MIKE DEWINE S OFFICE Assistant Attorney Solicitor 16

Case: 16-40797 Document: 00513534709 Page: 19 Date Filed: 06/06/2016 STATE OF OKLAHOMA Plaintiff - Appellee Scott A. Keller, Solicitor Assistant Attorney Patrick R. Wyrick OKLAHOMA ATTORNEY GENERAL S OFFICE Solicitor 17

Case: 16-40797 Document: 00513534709 Page: 20 Date Filed: 06/06/2016 STATE OF FLORIDA Plaintiff - Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor STATE OF ARIZONA Plaintiff Appellee Scott A. Keller, Solicitor 18

Case: 16-40797 Document: 00513534709 Page: 21 Date Filed: 06/06/2016 Assistant Attorney Solicitor STATE OF ARKANSAS Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney 19

Case: 16-40797 Document: 00513534709 Page: 22 Date Filed: 06/06/2016 Solicitor ATTORNEY GENERAL BILL SCHUETTE Plaintiff Appellee Scott A. Keller, Solicitor Assistant Attorney Solicitor 20

Case: 16-40797 Document: 00513534709 Page: 23 Date Filed: 06/06/2016 STATE OF TENNESSEE Plaintiff Appellee Scott A. Keller, Solicitor Peter J Rusthoven Assistant Attorney Solicitor Scott A. Keller, Solicitor 21

Case: 16-40797 Document: 00513534709 Page: 24 Date Filed: 06/06/2016 STATE OF NEVADA Plaintiff - Appellee Peter J Rusthoven Assistant Attorney Solicitor UNITED STATES OF AMERICA Defendant Appellant Scott R. McIntosh U.S. DEPARTMENT OF JUSTICE CIVIL DIVISION, APPELLATE SECTION Beth S. Brinkmann, Esq. U.S. DEPARTMENT OF JUSTICE 22

Case: 16-40797 Document: 00513534709 Page: 25 Date Filed: 06/06/2016 CIVIL DIVISION, APPELLATE SECTION Jeffrey A. Clair, Esq. U.S. DEPARTMENT OF JUSTICE CIVIL DIVISION, APPELLATE SECTION Kyle R. Freeny U.S. DEPARTMENT OF JUSTICE CIVIL DIVISION Adam David Kirschner USDOJ, CIVIL DIVISION Daniel Stephen Garrett Schwei US DEPARTMENT OF JUSTICE James J. Gilligan US DEPARTMENT OF JUSTICE Jennifer D. Ricketts US DEPARTMENT OF JUSTICE Daniel David Hu OFFICE OF THE US ATTORNEYS OFFICE Kathleen Roberta Hartnett U.S. DEPARTMENT OF JUSTICE CIVIL DIVISION, APPELLATE SECTION William Ernest Havemann, Trial Attorney U.S. DEPARTMENT OF JUSTICE JEH CHARLES JOHNSON, SECRETARY, DEPARTMENT OF Benjamin C. Mizer, Solicitor U.S. DEPARTMENT OF JUSTICE 23

Case: 16-40797 Document: 00513534709 Page: 26 Date Filed: 06/06/2016 HOMELAND SECURITY Defendant Appellant John R. Tyler US DEPARTMENT OF JUSTICE Scott R. McIntosh Direct: 202-514-4052 Beth S. Brinkmann, Esq. Jeffrey A. Clair, Esq. Kyle R. Freeny Adam David Kirschner Daniel Stephen Garrett Schwei James J. Gilligan Jennifer D. Ricketts Daniel David Hu Kathleen Roberta Hartnett William Ernest Havemann, Trial Attorney 24

Case: 16-40797 Document: 00513534709 Page: 27 Date Filed: 06/06/2016 R. GIL KERLIKOWSKE, Commissioner of U.S. Customs and Border Protection Defendant Appellant Benjamin C. Mizer, Solicitor John R. Tyler Scott R. McIntosh Beth S. Brinkmann, Esq. Jeffrey A. Clair, Esq. Kyle R. Freeny Adam David Kirschner Daniel Stephen Garrett Schwei James J. Gilligan Jennifer D. Ricketts Kathleen Roberta Hartnett William Ernest Havemann, Trial Attorney 25

Case: 16-40797 Document: 00513534709 Page: 28 Date Filed: 06/06/2016 RONALD D. VITIELLO, Deputy Chief of U.S. Border Patrol, U.S. Customs and Border of Protection Defendant Appellant Benjamin C. Mizer, Solicitor John R. Tyler Scott R. McIntosh Beth S. Brinkmann, Esq. Jeffrey A. Clair, Esq. Kyle R. Freeny Adam David Kirschner Daniel Stephen Garrett Schwei James J. Gilligan Jennifer D. Ricketts Daniel David Hu Kathleen Roberta Hartnett William Ernest Havemann, Trial Attorney 26

Case: 16-40797 Document: 00513534709 Page: 29 Date Filed: 06/06/2016 SARAH R. SALDANA, Director of U.S. Immigration and Customs Enforcement Defendant Appellant Benjamin C. Mizer, Solicitor John R. Tyler Scott R. McIntosh Beth S. Brinkmann, Esq. Jeffrey A. Clair, Esq. Kyle R. Freeny Adam David Kirschner Daniel Stephen Garrett Schwei James J. Gilligan Kathleen Roberta Hartnett LEON RODRIGUEZ, Director of U.S. Citizenship and Immigration Services Defendant Appellant William Ernest Havemann, Trial Attorney Benjamin C. Mizer, Solicitor 27

Case: 16-40797 Document: 00513534709 Page: 30 Date Filed: 06/06/2016 John R. Tyler Scott R. McIntosh Beth S. Brinkmann, Esq. Jeffrey A. Clair, Esq. Kyle R. Freeny Adam David Kirschner Daniel Stephen Garrett Schwei James J. Gilligan Jennifer D. Ricketts Daniel David Hu Kathleen Roberta Hartnett William Ernest Havemann, Trial Attorney Benjamin C. Mizer, Solicitor 28

Case: 16-40797 Document: 00513534709 Page: 31 Date Filed: 06/06/2016 JANE DOE #1 Intervenor Nina Perales, Esq. MEXICAN-AMERICAN LEGAL DEFENSE & EDUCATIONAL FUND Adam Paul KohSweeney, Esq. O MELVENY & MYERS, L.L.P. Gabriel Markoff, Esq. O MELVENY & MYERS, L.L.P. J. Jorge deneve O MELVENY & MYERS, L.L.P. Linda J. Smith DLA PIPER, L.L.P. (US) JANE DOE #2 Intervenor Nina Perales, Esq. Adam Paul KohSweeney, Esq. Gabriel Markoff, Esq. J. Jorge deneve Linda J. Smith JANE DOE #3 Intervenor Nina Perales, Esq. Adam Paul KohSweeney, Esq. 29

Case: 16-40797 Document: 00513534709 Page: 32 Date Filed: 06/06/2016 Gabriel Markoff, Esq. J. Jorge deneve Linda J. Smith Movant: Natural Born Citizen Party National Committee Natural Born Citizen Party National Committee c/o Harold W. Van Allen, Co- Chairperson Other Interested Parties Approximately 50,000 immigrant youth who received three year employment authorization documents from the federal government between November 20, 2014 and March 3, 2015 under the Deferred Action for Childhood Arrivals program and who live in one of the 26 states that are plaintiffs in Texas v. United States, 14: CV- 254-ASH (S.D. Texas filed Dec. 3, 2014). 30

Case: 16-40797 Document: 00513534709 Page: 33 Date Filed: 06/06/2016 FACTUAL BACKGROUND AND NATURE OF EMERGENCY The factual background in this matter is set forth more fully in the petition for a writ of mandamus filed concurrently with this motion. See Petition for Writ of Mandamus (Pets. Writ) at 4-9. Petitioners are recipients of deferred action pursuant to the Deferred Action for Childhood Arrivals ( DACA ) program. See Ex. B (Decl. of A. Villalobos) 5; Ex. C (Decl. of J. Escalante) 10; Ex. D (Decl. of J. Doe #4) 9; Ex. E (Decl. of J. Doe #5) 10. Each was issued an employment authorization document ( EAD ) valid for three years between November 20, 2014 and March 3, 2015. Ex. B (Decl. of A. Villalobos) 7; Ex. C (Decl. of J. Escalante) 12; Ex. D (Decl. of J. Doe #4) 11; Ex. E (Decl. of J. Doe #5) 12. Each of them resides in a Plaintiff State. Ex. B (Decl. of A. Villalobos) 3; Ex. C (Decl. of J. Escalante) 2; Ex. D (Decl. of J. Doe #4) 5; Ex. E (Decl. of J. Doe #5) 3. Petitioners are not parties to Texas v. United States, No. 14-00254 (S.D. Tex.). The district court in the Texas case issued a sanctions order against Defendants, the federal government, on May 19, 2016. See Ex. A (May 19 Order). Among other sanctions, the district court ordered Defendants to file a list of all personally identifying information for all individuals living in the 26 Plaintiff States to whom three-year EADs were issued between November 20, 2014 and March 3, 2015. Id. at 22-23. In total that list would contain personally identifying 31

Case: 16-40797 Document: 00513534709 Page: 34 Date Filed: 06/06/2016 information for some 50,000 individuals. Ex. G (Decl. of L. Rodriguez) 5. The district court ordered this list to be filed not later than June 10, 2016. Ex. A (May 19 Order) at 23. Defendants have moved for a stay of the sanctions order. See Ex. F (Defs. Mot. to Stay). The district court has not ruled on that motion, but has scheduled an argument regarding the motion on June 7, three days before the deadline to file the list. Petitioners sensitive personal information will be on that list if it is filed. As set forth in the petition for a writ of mandamus filed concurrently, the district court s order is completely unjustified and fails to take account of the constitutional privacy interests of Petitioners and some 50,000 other nonparty individuals. See Pets. Writ at 14-24. Because the district court has ordered filing of the list immediately even before the issues pending at the Supreme Court in the Texas case are resolved an emergency stay is necessary to preserve the status quo and protect Petitioners ability to assert their privacy rights before this Court. Petitioners respectfully request that this Court enter a stay no later than June 8, 2016. 1 1 Petitioners request that the Court rule at least 48 hours before the June 10 district court deadline so petitioners may seek further review if necessary. 32

Case: 16-40797 Document: 00513534709 Page: 35 Date Filed: 06/06/2016 ARGUMENT AND AUTHORITIES Petitioners respectfully move this court for a stay of the portion of the sanctions order regarding the production of their personal information pending disposition of the petition for a writ of mandamus filed concurrently with this motion. This Court has authority under the All Writs Act, 28 U.S.C. 1651, to issue a stay pending its resolution of the mandamus petition. Moreover, such a stay is amply warranted because the district court has entered an order infringing on the privacy rights of some 50,000 nonparty immigrant youth without justification and on extremely short notice. I. THIS COURT HAS AUTHORITY TO GRANT A STAY Petitioners are seeking mandamus relief pursuant to the All Writs Act, 28 U.S.C. 1651, which provides that [t]he Supreme Court and all courts established by Act of Congress may issue all writs necessary or appropriate in aid of their respective jurisdictions and agreeable to the usages and principles of law. Under the All Writs Act, this Court also has the authority to enter an emergency stay pending final disposition of this mandamus petition. See Fed. R. App. P. 8 advisory comm. nn. (1967) (observing that the power of a court of appeals to stay proceedings in the district court during the pendency of an appeal... exists by virtue of the all writs statute ); Lawrence on Behalf of Lawrence v. Chater, 516 U.S. 163, 168 (1996) (per curiam) (noting the flexibility of the Supreme Court s 33

Case: 16-40797 Document: 00513534709 Page: 36 Date Filed: 06/06/2016 longstanding approach to applications for stays and other summary remedies granted without determining the merits of the case under the All Writs Act ) (citing Heckler v. Lopez, 463 U.S. 1328 (1983) (Rehnquist, J., in chambers)); United States v. Lynd, 301 F.2d 818, 823 (5th Cir. 1962) (granting a motion pursuant to the All Writs Act for an injunction pending appeal from the denial of a temporary injunction). Because a petition for a writ of mandamus is an original action, Rule 8, which governs motions for stays pending appeal, does not apply. Compare Fed. R. App. P. Title II ( Appeal from a Judgment or Order of a District Court, including Rule 8) with id. Title V ( Extraordinary Writs, including rule governing mandamus). There is therefore no requirement that Petitioners first seek a stay in the district court pursuant to Rule 8(a)(1). Even if Rule 8 did apply, moving first in the district court would be impracticable under the circumstances of this case. Fed. R. App. P. 8(a)(2)(A)(i). First, Petitioners are not parties to the Texas litigation, so seeking a stay would require Petitioners to seek to intervene, and have that intervention granted. Second, the sanctions order was filed just over two weeks ago. Because Petitioners were unaware until that time that their personal information might be put at risk in that matter, there has been only a truncated period of time to retain counsel, identify legal theories, and prepare to challenge the order. Requiring an additional 34

Case: 16-40797 Document: 00513534709 Page: 37 Date Filed: 06/06/2016 procedural step intervention and pursuit of a stay before the district court would be impracticable. Third, the Defendants have been ordered to file the list on June 10, one week from today. In light of that imminent deadline, it would likewise be impracticable to delay seeking mandamus in the Court of Appeals in order to first seek a stay in the district court. Accordingly, even if the standard of Rule 8 did apply, a stay is procedurally appropriate under these circumstances. II. AN EMERGENCY STAY IS AMPLY WARRANTED A stay of the district court s order to produce the list of personal identifying information is amply warranted in this case. The Court considers four factors in deciding whether to grant a stay pending disposition of the merits: (1) whether the stay applicant has made a strong showing that he is likely to succeed on the merits; (2) whether the applicant will be irreparably injured absent a stay; (3) whether issuance of the stay will substantially injure the other parties interested in the proceeding; and (4) where the public interest lies. Texas v. United States, 787 F.3d 733, 746-47 (5th Cir. 2015) (internal quotation marks omitted). These factors substantially overlap with the mandamus merits analysis. 1. Petitioners are likely to succeed on the merits. Petitioners have simultaneously filed a mandamus petition, setting out in full an explanation for why the writ should issue. See Pets. Writ. For all the reasons 35

Case: 16-40797 Document: 00513534709 Page: 38 Date Filed: 06/06/2016 set forth in their petition, Petitioners respectfully submit that they are likely to succeed on the merits. 2. Petitioners will be irreparably injured absent a stay. As set forth in the mandamus petition, the district court s order violates Petitioners constitutional right against unwarranted disclosure of sensitive personal information. See Pets. Writ at at pp. 14-24. Such unjustified disclosure would irreparably harm them. The violation of a constitutional right, including the right to privacy, generally cannot be undone by monetary relief and is therefore irreparable. Deerfield Med. Ctr. v. City of Deerfield Beach, 661 F.2d 328, 338 (5th Cir. 1981). Moreover, even apart from the constitutional basis of Petitioner s claim, the unwarranted disclosure of private information is itself an irreparable injury. See Roberts v. Austin, 632 F.2d 1202, 1214 (5th Cir. 1980). Therefore, absent a stay, Petitioners will suffer irreparable injury. 3. No other parties will be injured absent a stay. In their mandamus petition, Petitioners explain that neither the district court nor the Plaintiff States have any legitimate interest in their personally identifying information. See Pets. Writ at pp. 14-17. Thus a stay of the district court s order would cause no injury to any party or anyone else. Moreover, even if the Plaintiff States had some conceivable legitimate interest in this information, the district court itself made clear that it would not entertain a request to disclose information 36

Case: 16-40797 Document: 00513534709 Page: 39 Date Filed: 06/06/2016 until the Supreme Court has issued a decision in U.S. v. Texas, No. 15-674 (U.S. filed Nov. 20, 2015). See Ex. A (May 19 Order) at 23. Thus, at a minimum, a stay of the district court s order until such time as the Supreme Court issues its decision could not harm the Plaintiff States. 4. The public interest strongly militates for a stay. The public interest in this case uniformly argues in favor of a stay. Petitioners are only four out of some 50,000 individuals whose sensitive personal identifiers and immigration status information is put at risk of exposure because of the district court s order. Likewise, Defendants have explained that the court s order to produce that information will heavily burden the government s resources and undermine public confidence in the security of personal information disclosed to the government, chilling future applications for immigration benefits. See Ex. F (Defs. Mot. to Stay) at 10-11. By contrast, granting a stay will not harm the public interest in any way. As explained in the mandamus petition, there is not only no justification for any disclosure of that private information, there is no reason whatsoever for the requirement that the government file all such information with the district court immediately. See Pets. Writ at p. 17 n.12. Indeed, the director of U.S. Citizenship and Immigration Services ( USCIS ) the agency responsible for the relevant databases has sworn under oath that the information will remain secure 37

Case: 16-40797 Document: 00513534709 Page: 40 Date Filed: 06/06/2016 and available, should disclosure ever become warranted. Ex. G (Decl. of L. Rodriguez) 9. Thus there is simply no harm in staying the order until this Court has an opportunity to resolve the mandamus petition. The pendency of the Texas litigation at the U.S. Supreme Court further underscores the appropriateness of a stay. One possible resolution of the issues before the Supreme Court would be a holding that the Plaintiff States lack standing to bring the underlying suit at all. But absent a stay, Petitioners sensitive personal information will be disclosed before the Supreme Court can weigh in regarding the federal courts subject matter jurisdiction or lack thereof over this entire litigation. A stay is therefore by far the most prudent course and the one most consistent with the public interest. CONCLUSION For the reasons above, Petitioners respectfully request that the Court stay the portion of the district court s May 19, 2016 order that requires the government to file certain information relating to the DACA recipients, pending resolution of the petition for a writ of mandamus in this matter. 38

Case: 16-40797 Document: 00513534709 Page: 41 Date Filed: 06/06/2016 I certify that the facts supporting emergency consideration of the motion are true and complete. Dated: June 3, 2016 Respectfully submitted, /s/ Karen C. Tumlin KAREN C. TUMLIN tumlin@nilc.org NORA A. PRECIADO preciado@nilc.org National Immigration Law Center 3435 Wilshire Blvd., Suite 1600 Los Angeles, CA 90010 Telephone: (213) 639-3900 JUSTIN B. COX cox@cox.legal Law Office of Justin B. Cox NILC Cooperating Attorney 1989 College Avenue NE Atlanta, GA 30317 Telephone: (678) 404-9119 OMAR C. JADWAT ojadwat@aclu.org American Civil Liberties Union Foundation Immigrants Rights Project 125 Broad Street, 18th Floor New York, NY 10004 Telephone: (212) 549-2620 CECILLIA D. WANG cwang@aclu.org CODY WOFSY cwofsy@aclu.org American Civil Liberties Union Foundation Immigrants Rights Project 39

Case: 16-40797 Document: 00513534709 Page: 42 Date Filed: 06/06/2016 39 Drumm Street San Francisco, CA 94111 Telephone: (415) 343-0770 EDGAR SALDIVAR Texas State Bar No. 24038188 esaldivar@aclutx.org REBECCA L. ROBERTSON Texas State Bar No. 00794542 rrobertson@aclutx.org American Civil Liberties Union of Texas 1500 McGowen Street, Suite 250 Houston, TX 77004 Telephone: (713) 942-8146 Counsel for Petitioners 40

Case: 16-40797 Document: 00513534709 Page: 43 Date Filed: 06/06/2016 CERTIFICATE OF CONFERENCE On June 3, 2016, I called counsel for all parties to the underlying litigation, Texas v. United States, No. 14-cv-00254 (S.D. Tex. filed Dec. 3, 2014), and informed them all of Petitioners intent to file a petition for mandamus, a motion for a stay, and a motion for Jane Does #4-5 to proceed under pseudonyms. Counsel for the Plaintiff States stated that they oppose mandamus and a stay, and take no position on the motion to proceed under pseudonyms. Counsel for Defendant United States and the other federal government defendants stated that they take no position prior to the filing of these pleadings, and that they will inform the Court of their position after they have had an opportunity to review the filed documents. Counsel for Intervenor-Defendants Jane Does #1-3 stated that the Jane Doe Defendant Intervenors are not opposed to a stay of that portion of the district court s May 19, 2016 order requiring filing under seal of the names and other personal information of certain recipients of deferred action. /s/ Karen C. Tumlin Karen C. Tumlin Counsel for Petitioners 41

Case: 16-40797 Document: 00513534709 Page: 44 Date Filed: 06/06/2016 CERTIFICATE OF ELECTRONIC COMPLIANCE Counsel also certifies that on June 3, 2016, this brief was transmitted to Mr. Lyle W. Cayce, Clerk of the United States Court of Appeals for the Fifth Circuit, via the court s CM/ECF document filing system, https://ecf.ca5.uscourts.gov/. Counsel further certifies that: (1) required privacy redactions have been made, 5th Cir. R. 25.2.13; (2) the electronic submission is an exact copy of the paper document, 5th Cir. R. 25.2.1; and (3) the document has been scanned with the most recent version of Symantec Endpoint Protection and is free of viruses. /s/ Karen C. Tumlin Karen C. Tumlin Counsel for Petitioners 42

Case: 16-40797 Document: 00513534709 Page: 45 Date Filed: 06/06/2016 CERTIFICATE OF ELECTRONIC COMPLIANCE Counsel also certifies that on June 3, 2016, this brief was transmitted to Mr. Lyle W. Cayce, Clerk of the United States Court of Appeals for the Fifth Circuit, via the court s CM/ECF document filing system, https://ecf.ca5.uscourts.gov/. Counsel further certifies that: (1) required privacy redactions have been made, 5th Cir. R. 25.2.13; (2) the electronic submission is an exact copy of the paper document, 5th Cir. R. 25.2.1; and (3) the document has been scanned with the most recent version of Symantec Endpoint Protection and is free of viruses. /s/ Karen C. Tumlin Karen C. Tumlin Counsel for Petitioners 43

Case: 16-40797 Document: 00513534709 Page: 46 Date Filed: 06/06/2016 CERTIFICATE OF SERVICE I certify that this document has been filed with the clerk of the court and served by ECF or email on June 3, 2016, upon counsel of record in the underlying litigation, Texas v. United States, No. 14-cv-00254 (S.D. Tex. filed Dec. 3, 2014). I further certify that some of the participants in the case are not registered CM/ECF users. I have emailed and/or mailed the foregoing document by First-Class Mail, postage prepaid, or have dispatched it to a third party commercial carrier for delivery within 3 calendar days to the following non-cm/ecf participants: Honorable Andrew S. Hanen c/o Cristina Sustaeta, Case Manager United States District Clerk's Office United States Courthouse 600 East Harrison St., #101 Brownsville, TX 78520 Judge_hanen@txs.uscourts.gov /s/ Karen C. Tumlin KAREN C. TUMLIN Counsel for Petitioner 44